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EUROPEAN COMMISSION

DIRECTORATE-GENERAL FOR ENERGY

DG ENER Working Paper


The future role and challenges of Energy Storage

Energy storage will play a key role in enabling the EU to develop a low-carbon electricity
system. Energy storage can supply more flexibility and balancing to the grid, providing a
back-up to intermittent renewable energy. Locally, it can improve the management of
distribution networks, reducing costs and improving efficiency. In this way, it can ease the
market introduction of renewables, accelerate the decarbonisation of the electricity grid,
improve the security and efficiency of electricity transmission and distribution (reduce
unplanned loop flows, grid congestion, voltage and frequency variations), stabilise market
prices for electricity, while also ensuring a higher security of energy supply.

Currently, there is limited storage in the EU energy system (around 5% of total installed
capacity) almost exclusively from pumped hydro-storage, mainly in mountainous areas
(Alps, Pyrenees, Scottish Highlands, Ardennes, Carpathians). Other forms of storage –
batteries, electric cars, flywheels, hydrogen, chemical storage - are either minimal, or at a
very early stage of development.

The Commission would like to give more attention to the issues around energy storage with
a view to addressing them more effectively in EU energy policy. This paper considers the
key questions which need to be considered in promoting energy storage development and
deployment:

1. What is the role of energy storage in today's and tomorrow's energy system?
2. Why is storage becoming more important for energy policy?
3. At which level of electricity networks should storage be integrated?

4. What is the state of play for main storage technologies?


5. What are the barriers to further development and deployment?
6. Why is this an important issue for the EU?

7. How could the regulatory framework be adjusted to integrate storage better in the
supply chain?
8. What can the EU do to enable the short and medium term development and
deployment of storage at all levels?
1. What is the role of energy storage in today's and tomorrow's energy system?

Energy storage is essential to balance supply and demand. Peaks and troughs in demand can
often be anticipated and satisfied by increasing, or decreasing generation at fairly short
notice. In a low-carbon system, intermittent renewable energy (RES) makes it more difficult
to vary output, and rises in demand do not necessarily correspond to rises in RES
generation. Higher levels of energy storage are required for grid flexibility and grid stability
and to cope with the increasing use of intermittent wind and solar electricity. Smart cities, a
key energy policy goal, require smart grids and smart storage.
Energy storage is an established
technology. Pumped Hydro Storage
Systems (PHS) for large scale electricity
storage represents almost 99 % of current
worldwide storage capacity. Pumped
Hydro was attractive, and essential,
when Europe's networks were mainly
composed of a large number of regional
grids with very weak interconnections.
Today, modern fossil fuel based power
plants (and especially natural gas
combined cycles) are becoming more and
more flexible. Their ramping up speed in
response to rapid changes in demand is
increasing. They can provide reliable and
flexible back-up power. In the short
term, therefore, electricity storage needs to fill the gap between the ramping down time
of wind and solar and the ramping up time of these back-up plants. The challenge is to
increase existing storage capacities and increase efficiencies.
Gas storage is therefore closely linked to electricity storage. Some demand for storage, or
seasonal variations in demand, can be covered by natural gas storage. Europe has an average
gas storage capacity of some 51 days (see table below). Gas is an important fuel for
electricity production and natural gas power plants have a very high efficiency (above 60%
for the best available technology), a very high flexibility and low CO2 emissions (replacing
an old coal fired power plant by a natural gas fired power plant reduces the CO2 emissions
per kWh up to 80%. In the future, injection of biogas and hydrogen into the natural gas grid,
and the longer term commercialisation of Carbon Capture and Storage will further
decarbonise gas-powered generation).

Indeed, the expansion of natural gas fired power plants, the increased efficiency and the
reduced costs of flexible combined-cycle and simple-cycle natural gas turbines combined
with the strong and fast growing interconnection of the grid on an EU-level and falls in gas
prices, have reduced the economic competiveness of pumped hydro storage. So, utilities are
tending to rely on combined-cycle gas turbine systems.

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Storage serves several purposes in today's power system

Application in Transmission grid- Distribution grid End-user Storage


power central storage storage
system

Functio- (national and European (city level) (household level)


nalities level)
of storage
Balancing Seasonal / weekly Daily / hourly Daily variations
demand and fluctuations variations
supply (electricity and
Large geographical Peak shaving heat/cold storage
unbalances need to be integrated)
(electricity and
Strong variability of wind heat/cold storage
and solar need to be
integrated)
(electricity and gas
storage need to be
integrated)

Grid Voltage and frequency Voltage and Aggregation of small


management regulation frequency storage systems
regulation providing grid
Complement to classic services
power plants for peak Substitute existing
generation ancillary services
(at lower CO2)
Participate in balancing
markets Participate in
balancing markets
Cross-border trading

Energy Better efficiency of the Demand side Local production


Efficiency global mix, with time- management and consumption
shift of off-peak into peak
energy Interactions grid- Behaviour change
end user
Increase value of PV
and local wind

Efficient buildings

Integration with
district heating
/cooling and CHP

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European and global energy policies based simultaneously on a reduction of CO2 emissions,
a shift towards intermittent renewable power while maintaining secure energy supplies
changes the ground rules for storage and calls for a new approach to storage as a key
component of the future low-carbon electricity system.

Decisions to invest into the development of storage and deployment of adequate


storage capacity will depend on the evolution of the whole energy system. They are
closely linked to developments such as (a) electricity super-highways with large-scale RES
in North Sea and North Africa combined with distributed/regional RES solutions; (b)
penetration of electric vehicles; (c) improvements in demand response/demand side
management/smart grids.

Maximum working Maximum withdrawal Average days of


volume capacity per day storage
(million m³) (million m³) (volume/capacity)
Austria 4744 58 82
Belgium 600 12 50
Bulgaria 600 4 150
Cyprus 0 0 0
Czech Republic 3127 52 60
Denmark 1020 18 57
Estonia 0 0 0
Finland 0 0 0
France 11900 200 60
Germany 21297 515 41
Greece 0 0 0
Hungary 6330 72 88
Ireland 230 3 77
Italy 14747 153 96
Latvia 2325 24 97
Lithuania 0 0 0
Luxembourg 0 0 0
Malta 0 0 0
Netherlands 5000 145 34
Norway
Poland 1640 32 51
Portugal 159 2 80
Romania 2760 28 99
Slovakia 2785 39 71
Slovenia 0 0 0
Spain 2367 13 182
Sweden 9 1 9
Switzerland 0 0 0
Turkey 2661 18 148
UK 4350 86
Total EU-27 plus
Switzerland, Turkey 88651 1475 51
Courtesy: Eurogas, statistical report 2011

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In addition, the main energy storage functionalities such as Energy time-shift, Quick energy
injection and Quick energy extraction are expected to make a large contribution to security
of power supplies, power quality and minimisation of direct costs and environmental costs.

The greatest need for electricity is for a few hours only, providing gas generation or turbines
are available quickly and in adequate volumes, for example at times of zero wind or PV
(e.g. the cold period in Europe in January 2012). Of vital importance is the ramping
up/ramping down of wind-based electricity and the ramping up of storage systems and
(usually natural gas based) back-up power. Back-up power is usually to slow to compensate
for rapid ramping up/down of wind. In the future, as wind and PV increase their share of
supplies, electricity system, storage systems will have to be very fast and cover the
intermediate period between the falling off the wind and the coming on-line of any back-up
capacity.

Therefore, the dynamic behaviour of storage is even more important than its long term
capacity. This is indicated in Table 1 (source: JRC) in the power rating, the energy rating
and the response time, whereas the capacity (in kWh) is considered of lesser importance.

2. Why is storage becoming more important for energy policy?

The need to promote more energy storage is related to the increase in intermittent
wind and solar and to the demand peak increase.

When the intermittent renewable share is lower than 15% to 20 % of the overall electricity
consumption, the grid operators are able to compensate the intermittency. This is not the
case when the share exceeds 20-25%, as is reached at times in Denmark, Spain and
Germany. When these levels of 25% and above are reached, intermittent RES need to be
curtailed during the low consumption periods in order to avoid grid perturbation (frequency,
voltage, reactive power) and grid congestion, unless the RES excess can be stored.
Alternative resources – back-up and/or storage are needed when demand does not fall at the
same time as the fall in RES generation.

Energy storage needs to be integrated in network-based energy systems, in the electrical


grid system, heat and cooling network and gas networks. It can also provide an important
contribution to the development and emergence of the Smart Grid concept at all voltage
levels.

Energy storage can become an integrated part of Combined Heat and Power (CHP), solar
thermal and wind energy systems to facilitate their integration in the grid.

The peak increase issue can also be solved where energy storage is available at different
levels of the Electrical System: centralised energy storage as a reserve; decentralised storage
in the form of demand management and demand response systems. In CHP district
networks, the storage of heat (or cold) can be much more cost effective than the storage of
electricity, if the CHP system is operated according to the electricity demand.

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3. At which level of electricity networks should storage be integrated?

Energy storage can be integrated at different levels of the electricity system:


ƒ Generation level: Arbitrage, balancing and reserve power , etc.
ƒ Transmission level: frequency control, investment deferral
ƒ Distribution level: voltage control, capacity support, etc.
ƒ Customer level: peak shaving, time of use cost management, etc.
These different locations in the power system will involve different stakeholders and will
have an impact on the type of services to be provided. Each location will provide a specific
share of deregulated and regulated income streams.

Different energy storage systems will have to be considered (centralised and decentralised)
and specific business models will have to be identified.

A localisation map will help to define the possible needs for regulatory change and
incentives.

It is important to ensure that electricity from RES keeps its RES label, even if it has been
stored before the final consumption. Possible feed in tariffs should not be affected by
intermediate storage. Only the share of renewables at the point of pumping should qualify as
renewable electricity.

In a future low-carbon energy system, storage will be needed at all points of the
electricity system

Centralised RES Local RES

Transmission Distribution grid


grid

Smart
Appliances
Small-scale
consumers
Large-scale
consumers

Thermal storage, ‘intelligent


appliances’, etc.

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‘Electric energy
storage’
4. What is the state of play for the main storage technologies?

Energy storage technology can serve at various locations at which electricity is produced,
transported, consumed and held in reserve (back-up). Depending on the location storage can
be large-scale (GW), medium-sized (MW) or micro, local systems (kW). Research and
technological development is needed to enable the wider application of many known
technologies, and to develop new ones. Some of the key technologies, not all of which are
at the stage of commercial application are:
ƒ Large bulk energy (GW):
o Thermal storage, pumped hydro;
o Compressed Air Energy Storage (CAES);
o Chemical storage (e.g. hydrogen - large scale >100MW, up to weeks and
months)

ƒ Grid storage systems (MW) able to provide:


o Power: super-capacitors, Superconducting Magnetic Energy Storage
(SMES), flywheels,
o Energy : batteries such as Lead Acid , Li-ion, NaS & Flow batteries
o Energy & Power: LA & Li-ion batteries
o Hydrogen Energy Storage / CAES / Pumped Hydro Energy Storage (PHES)
(small scale, 10MW< P > 100MW, hours to days)

ƒ End-user storage systems (kW):


o Power: super-capacitors, flywheels
o Energy: batteries such as Lead acid and Li-ion
o Energy & Power: Li-ion batteries

Table 2 and Annex 1 summarise the technical and economical features of power storage
technologies.

Energy storage needs, and patterns of access are changing (e.g. not only driven by
demand side variations). Technologies will need to respond accordingly. Storage
capacity also depends on the size of the reservoir. This determines the time where this
power is available. In the past, with one cycle per day, energy storage was rated mainly in
GWh (energy capacity); today the same systems are used up to 10 and 20 times per day; the
installed power in GW (given by the number and the size of the installed turbines) becomes
more important, as the service requested has changed over the years. This dynamic
behaviour of existing storage will increasingly move in the direction of quick and powerful
response to the needs of the grid.

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Technical and economical features of power storage technologies 1 (see also Annex 1 for
more details)

1
JRC (2012) – 2011 Technology Map of SET Plan

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5. What are the barriers to further development and deployment?

The main challenges for storage are


i) technological
- increasing capacities and efficiencies of existing technologies,
- developing new technologies for local (domestic), decentralised or large
centralised application,
- and market deployment;
ii) market and regulatory issues
- creating appropriate market signals to incentivise the building of storage capacity
and provision of storage services,
- building up a European-level market and common balancing markets, as exist in
Nordic countries and between Germany and Austria,
iii) strategic
- developing a systemic or holistic approach to storage, bridging technical,
regulatory, market and political aspects.

Above all, the main challenge for energy storage development is economic.

The economic and business case varies from case to case, depending, among other things,
on where the storage is needed: generation, transmission, distribution or customer level. The
benefits for users/operators is also closely linked to the question of storage location.

A number of uncertainties strongly affect the value assessment of energy storage:

ƒ The existence of compensation schemes for storage: this is a key issue when some
stakeholders are part of the regulated market (TSO’s/DSO’s) and the other are part
of the deregulated market (e.g. producers and end customers)
ƒ The potential to develop new and innovative business models: energy storage studies
in both Europe and US demonstrate that the provision of a single service (e.g. kWh)
was not sufficient to make the storage scheme cost effective; services such as
frequency stabilisation and voltage stabilisation have a much higher commercial
value.
ƒ Ownership of the future energy storage systems whatever the location and the grid
connection (Transmission or Distribution): should storage be owned by utilities or
TSOs?
Another challenge is grid integration. Energy Storage should not be seen as a stand-alone
technology. It will certainly compete and /or complement other ways to improve the grid
flexibility. A whole package of integrated measures is needed:
ƒ Large centralised and small decentralised storage
ƒ Flexible generation systems (centralised and decentralised)
ƒ Back-up capacity

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ƒ More cables: Transmission and Distribution grid upgrades are a vehicle for flexible
sources and allows to share flexibility over a larger geographic area, including
interconnections and interoperability of different smart energy networks (heat and
electricity, demand side management and demand response
A further issue is overall system cost. One single solution will probably not be the most
cost-optimal solution. A mix of all solutions is needed, tailored for each region and system
architecture.

Another issue which present challenges to storage development are the future of the CO2
emissions framework, public acceptance of cables, grid access and investment priorities. If
they are adequately addressed, the situation for energy storage could be considerably
improved.

6. Why is this an important issue for the EU?

The development of a low-carbon electricity system, set out in the EU 2050 Energy
Roadmap, requires Member States work together to optimise the different technologies,
drive the necessary investments and to harmonise the different rules within the European
energy market.

European energy storage development requires new, European rules to enable its
speedy development while avoiding distortion in competition and allowing cross-border
trading.

Installed Pumped Hydro Storage power capacity in Europe

Pumped Hydro Pumped Hydro


(MW installed end 2010) (MW to be installed 2011-2015)
Italy 8,895
Germany 7,326 74
Spain 5,657 1,270
France 5,229
Austria 3,774 1,027
UK 3,251
Switzerland 2,729 1,628
Poland 1,948
Norway 1,690
Bulgaria 1,330
Czech Republic 1,239
Belgium 1,186
Luxembourg 1,146 200
Portugal 968 1,660
Slovakia 968
Lithuania 820
Greece 729

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Ireland 594
Turkey 500
Sweden 466
Romania 378
Slovenia 185
Finland 0
Latvia 0
Hungary 0
Netherlands 0
Denmark 0
Cyprus 0
Estonia 0
Malta 0
Total EU-27
plus Norway,
Switzerland,
Turkey 51,008 MW 5,859 MW
Data updated by the Hydro Equipment Association (HEA) in March 2012 for this strategy paper; small and large pumped
hydro is included. (Source: MacKay, David J.C. 2007. Enhancing Electrical Supply by Pumped Storage in Tidal
Lagoons. University of Cambridge. March 2007).
Energy storage is closely related to policy on renewable electricity. Here, Member States
have differing interests and possibilities and are at different stages of development (from
near zero to over 50% of electricity generation). The EU is able to provide greater
coherency of actions, as well as technological cooperation and a wider market.
Improved market conditions and regulations agreed at EU level could spur an massive effort
in technology development. Today, development is very slow due to the poor
economic/business case and related uncertainties (see above). However, by investing
heavily in RTD, European industry could bring to the market a large number of innovative
storage technologies within a few years. Once these technologies have successfully passed
the R&D phase, some large scale, European demonstration projects on commercial scale
could be launched. The EU has suitable instruments: e.g. the RTD Framework Programme
and Horizon 2020, the Strategic Energy Technology plan (SET-Plan).
Annex 2 illustrates some of the weaknesses in the regulatory framework in EU (Survey on
National Regulation related to Energy Storage - source: European Association for Storage of
Energy - February 2012).

7. How could the regulatory framework be adjusted to integrate storage better in the
supply chain?

The regulatory framework should aim to create an equal level playing field for cross-
border trading of electricity storage.
• The regulatory framework needs to provide clear rules and responsibilities
concerning the technical modalities and the financial conditions of energy storage.
• It must address barriers preventing the integration of storage into markets. It should
guarantee a level playing field vis-à-vis other sources of generation, exploit its
flexibility in supplying the grid, stabilise the quality and supplies for RES

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generation. This will require new services and business opportunities linked to the
deployment of electricity storage solutions.
• The framework should be technology neutral, ensuring fair competition between
different technological solutions (not picking a winner).
• It should ensure fair and equal access to electricity storage independent of the size
and location of the storage in the supply chain.
• It should ensure medium-term predictability in the investment and financial
conditions (taxes, fees etc), enabling favourable conditions for all kinds of storage,
particularly micro-storage (home and district level).
• It could help improve the business/economic model for energy storage. The principal
domains where intervention are needed relate to ancillary services and the grid tariff.
For example, the grid tariff should be based on the principle of cost causality: if an
energy storage system is systematically using the grid during off-peak periods and
not during peak periods, it should not generate grid investment. Thus, the
introduction of a time component in grid tariffs could take account of the part of grid
investment due to energy storage2.

Today, energy markets are mainly connected to the day-ahead horizon. As a result, the
balancing products (tertiary frequency reserve) are only to a limited extent exchangeable
cross-border among Member States. Connecting and harmonization on EU-level of the
actual very heterogeneous intra-day and balancing markets is a precondition for energy
storage development and needs to be addressed urgently.

The third internal market package can help. The regulators are currently drafting a
framework guideline for a European balancing and reserve power market. This will be
followed by a legally binding network code drafted by the European Network of
Transmission System Operators (ENTSO-E).

As mentioned above, ownership of storage energy systems has a significant impact on the
viability of the business model and on competition. The question is: which ownership model
is likely to make the business case more attractive – one driven by regulation, or
deregulation? More reflection is urgently needed regarding the issue of competition:
regulated vs. deregulated; deregulated actors within one MS, or deregulated actors in
different MS. This issue should be addressed as high priority.

2
In United Stated the favourable environment for energy storage can be explained at least partly by the well-
developed ancillary services market: energy storage is allowed to participate and provide services that
account for both its qualities (e.g. fast response) and shortcomings (e.g. energy-limited supply).

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8. What can the EU do to enable the short and medium term development and
deployment of storage at all levels?

The issue of energy storage should be clearly positioned within EU energy and climate
policy: the internal market, 2020 and 2050 targets and infrastructure priorities. EU policy
needs to give clear and consistent signals to technology developers, the industry and
consumers. The optimisation of the power system and the synergies between the existing
system and storage technologies must be explored and promoted.
To enable the short term and large scale deployment of storage on an EU-wide level a
number of urgent actions could be undertaken:
• Strategic: Developing and assessing visions for the role of storage in integrating variable
renewable electricity generation, optimising the use of generation and energy network
capacities, providing services to the electricity system and promoting distributed generation to
improve energy efficiency and reduce CO2 emissions, as envisaged by the EU's 2020 binding
targets and the indicative targets for 2050 (RES Directive, Roadmap 2050). Synergies could be
made by a common approach to storage for electricity systems and storage for transport
(upcoming Electric vehicles, Plug-in hybrid vehicles);
• Consumer level: Supporting the development of consumer-based energy storage services linked
with local RES production, smart meters and smart local grids that ensure financial benefits for
the consumers; distinctions have to be made between short-term needs (up to 2020) and long-
term visions (2020 to 2030) storage used in Smart Cities and in RES integration) ('roadmaps');
• Market issues: Developing a level playing field – removing barriers related to accessing
neighbouring markets and cross border trading;
• Regulatory: Support for storage within the EU internal electricity market and regulatory
adjustments to enable storage to facilitate the progress towards a single internal electricity
market in Europe;
• Technological development: Mapping storage potential, storage technology development and
demonstration including the interoperability of different smart energy networks and deployment
through Horizon 2020 (RTD, Demonstration) – especially regarding how to integrate storage
into the SET plan activities (European Industrial Initiative);
• Investment support: All different forms of energy storage could be supported providing they
contribute towards the European climate and energy targets (technology neutral; target
oriented).

Conclusion

Therefore, there should be a stronger focus on storage in EU energy and climate


policies, and improved coordination between the issue of storage and other key policy
issues. Energy storage should be integrated into, and supported by, all relevant
existing and future EU energy and climate measures and legislation, including
strategies on energy infrastructure, including the Connecting Europe Facility; RES
promotion; Smart Cities and Communities; completion of the Internal Market; Energy
Efficiency Directive; Horizon 2020; 2050 Roadmap; as well as the forthcoming discussion
on a 2030 Strategy.
This note sets out the case for a stronger focus on storage in our policies, and improved
coordination between the issue of storage and other key policy issues, such as completing
the single market, smart cities, RTD etc.
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Annex 1. Technology overview
Main developments in the field of storage (technology priorities) – horizon of time

Past and present Short term Medium/ long term

Pumped hydro Innovative pumped hydro Advanced pumped hydro

Batteries Batteries Hydrogen

Advanced Batteries

Thermal storage (local level


and for CSP technology)

Today, and for the next decade, excess electricity is stored in pumped hydro systems (over
99%). In the medium term, excess renewable electricity may also be converted to hydrogen.
Hydrogen storage technology exists on all scales. This will open a multitude of new routes,
such as feeding hydrogen directly into the natural gas grid up to 50 to 10% (these are
gigantic quantities, and the natural gas storage and distribution may be used for free).
Hydrogen may also be used to power fuel cell cars. Hydrogen may also be converted to
natural gas (power to gas concept), or to methanol (for cars), or to be converted back to
electricity (through stationary fuel cells or gas engines). The hydrogen/storage route opens a
very large multitude of new paths that may contribute substantially to the Energy Roadmap
2050.

Past and present developments


The vast majority of existing large scale energy storage is based on pumped hydro storage.
Pumped hydro storage systems were built purely for electricity management. They were
initially built for pumping at night (supply of electricity higher than demand) and producing
electricity during day time (supply of electricity lower than demand). Then the application
of storage was demand levelling.

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These pumped hydro plants made business sense in times where Europe's grid was much
less interconnected as today and all pumped hydro storage aimed to stabilise a small
regional areas majorly serving to level the energy demand as described earlier. Today,
Europe's grid is much better integrated. This is why the market faces a problem for building
new large capacity even under the old generation scheme: the business case for pumped
hydro performed not as well as other options.

Large scale hydro dams were built mainly in the middle of the 20th century, mainly as a
combined measure of water management and electricity production. Some of these hydro
dams have been extended with a smaller pumped storage system. They are hybrid systems
of renewable energy production and energy storage.

Pumped hydro storage in Limberg, AT: two dams are visible


(courtesy: Hydro Equipment Association)

Pumped hydro storage systems follow more and more cycles per day. This tendency is
driven by the needs of the existing grid. The demand varies more stochastically: the
increased electricity production from renewables brings additional variability to the supply;
the predictability of renewables is still insufficient; the equilibrium between demand and
supply is more difficult to obtain through grid balancing and switching on/off reserve
capacity.

Many existing pumped hydro systems are foreseen to be upgraded by adding more turbines.
The overpowered storage systems will become more flexible and produce higher power
outputs over a shorter time. They produce more GW, but the GWh stay constant. The
overall storage capacity will not increase (the size of the reservoir stays the same). This
proves the higher degree of volatility in the system which is a result of both, intermittent
RES and schedule changes in conventional generation. However the grid of today and
especially the grid of tomorrow needs more storage capacity as well as more flexibility and
more dynamic reaction time, since volatile generation will constitute the major part of our
consumed energy, while the controllable conventional one will be less and less in operation.

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Pumped hydro storage systems should not be mixed with hydro power. Hydropower is
renewables electricity generation with excellent generation management. Experts don't call
it energy storage but fuel piling (like a coal pile in front of a coal fired power plant).

Pumped Hydro Storage in Vianden, Luxembourg


This is the largest electricity storage system in Europe with 11 turbines and 1.3 GW:
the upper reservoir is an artificial construction;
the river (with dam) is the lower reservoir
(courtesy: Hydro Equipment Association)

Hydropower accounts for 16% of the European electricity generation portfolio.


Hydropower's competitive advantage is related to its capability to stabilise fluctuations
between demand and supply. In addition, it provides the necessary flexibility capacity to
ensure the stability of the network. The key features of hydropower are stability and
flexibility.
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Hydropower produces electricity. Pumped hydro storage systems (PHS) don't produce any
energy; PHS stores electricity (like a battery) and PHS loses about 15% to 25% of electricity
(round trip efficiency about 75% to 85%).

Current investment and market regulatory framework - There is no particular investment


framework for pumped hydro storage. It is worth mentioning that from the investment
decision to starting operation of a pump storage investment requires a period almost ten year
long. Time and efforts are consumed in permits' granting.

Pumped hydro storage is seen as an electricity consumer and electricity generator.


Therefore, pumped hydro storage pays in most EU countries double fees (tariffs) for access
to the network; some TSOs charge nothing for the pumped hydro storage's role as electricity
consumer; other TSOs charge nothing for the little net consumption of PHS (withdrawal-
injection) or recognize it as a renewable based generator

There is no EU legislation to regulate this issue and TSOs treat pumped hydro storage as
they see it fit to their local market circumstances. The different approaches across national
markets create distortions which have an impact on access and related costs for pump
storage energy in neighbouring markets. A first overview of national regulation in the EU
on Energy Storage (in force early 2012) is included in annex.

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Batteries

Batteries history
The first operational battery was invented by Alessandro Volta (University of Pavia, Italy),
around 1800. It consisted of coins of copper and zinc, separated by a cardboard soaked in
salt water. It was not rechargeable.
Lead–acid batteries, invented in 1859 by French physicist Gaston Planté, are the oldest type
of rechargeable battery.
Batteries and cars: The first electric vehicles used non rechargeable batteries since 1830;
the rechargeable lead acid batteries dominated the world car market from 1860 to 1920.
Electric engines were the preferred methods for motor vehicle propulsion, providing a level
of comfort and ease of operation that could not be achieved by the gasoline cars of the time.
The gasoline engine won the technology race when Henry Ford pushed exclusively for
gasoline engines. Only in 1920 the world car fleet of gasoline engines surpassed the electric
car fleet. One hundred years later, we seem to see history reverting to electric vehicles.

Today batteries are mainly used in consumer electronics and cars.


Batteries and the grid: Today, there is simply no battery technology capable of meeting the
demanding performance requirements of the grid: uncommonly high power; long service
life time, very low cost. Less than 1% of the grid storage is done by batteries, mainly for
excessive cost reasons.

Today, lead acid batteries dominate in the car market. Despite having a low energy-to-
weight ratio and a low energy-to-volume ratio, their ability to supply high surge currents
means that the cells maintain a relatively large power-to-weight ratio. These features, along
with their low cost, make them attractive for use in motor vehicles to provide the high
current required by automobile starter motors, but not for propulsion.

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Compressed air energy storage

CAES Plant with underground storage

(Source: California Energy Commission, November 2011).

When electricity supply is higher than demand, air is compressed and stored underground. When
demand exceeds supply a gas turbine is fired up. All gas turbines need compressed air. In this case
the compressed air is available and the turbine starts up rapidly. In the "normal" case, the gas turbine
has to drive an air compressor that eats up a large part of the energy generated by the gas turbine
(above 20%). Also the start-up of the turbine is slower as the combustion air needs to be compressed
first. In summary, CAES increases the efficiency and the start-up time. It is a realistic alternative to
pumped hydro storage in regions that lack the mountains. However, without heat recovery, the
efficiency is very low (42% to 54%).

Compressed air storage with heat recovery will address the efficiency; however it exists on pilot
scale only.

19
- Short term technology development

An ambitious call for proposals was launched in 2011 (FP7-Energy-call 2011). It called for
large scale storage systems to demonstrate innovative technology on ideally one GWh scale
in the real commercial world.

One large project on innovative pumped hydro (total cost >80 million euros) proved that
there is still a potential to innovate: the project will demonstrate a full size new generation
of a variable turbine, that will allow a very precise load following and will react in seconds
instead of minutes. If successful (final results are expected by the end of 2013), this
technology would allow a major retrofit programme of hundreds of turbines within a few
years.

Proposed pumped storage projects in USA (2012)

(Source: California Energy Commission, November 2011).

20
- Medium/long term technology development
Many storage technologies are competing for the future market: Advanced pumped hydro
(variable, ultra-fast reacting generation), fly wheels, compressed air, batteries (of different
types), super-capacitors, etc. aim to store and to produce electricity. These storage
technologies all have different properties, aim to deliver different services, have different
capacities, dynamics, ramp rates, reaction times and costs. Progress is slow today, mainly as
industry does not invest too much money into their development; today in Europe there is
practically no business case foreseeable in the near future. Europe does have a chance to
stay/become a world leader if the right market conditions are created and the right long term
stable signals are given to our industry to massively invest into these technologies.

Advanced pumped hydro still has potential for improvement: combining variable turbines
with variable pumps and new generators reacting in seconds will open new business for
holistic integration into smart grid management. It urgently deserve a high attention for
close to market or first of its kind demonstration. The market time line is estimated at 3 to
10 years by different experts.

Hydrogen storage aims for long term storage and for more flexible systems and allow for
integrating energy storage with chemicals production. Hydrogen is discussed within the
HFC Joint Undertaking. It has promising properties, but it is still early to predict when
hydrogen storage would become commercially available in very large volumes. Expert's
opinions vary from 10 to 40 years. Also round trip efficiency is low: 20% (wind to
electrolysis to hydrogen to fuel cells to electricity) to 50% (chemical production of
hydrogen from natural gas). However, despite low efficiency, hydrogen could achieve low
and attractive costs.

The strongest argument for hydrogen is its extremely large versatility: it can be stored (the
technology is mature); be used directly in cars; be used to produce electricity (through
engines or fuel cells); be used as a primary chemical for many products; be used for hydro
cracking in refineries; be injected into the gas grid (up to 5 to 10%, which is a major
volume); etc.

The weakest link in the chain is the electrolyser: electrolysers have a one-way efficiency of
some 60%. Research is going on for higher efficiency (up to 80%) at high temperatures.
However electrolysers are not suited for variable operation for technical reasons. Also for
economic reasons electrolysers should be operated in full load, as they have a very high
CAPEX and a low OPEX. This problem of costs and variability should be solved urgently;
however it is only one of 30+ priorities of the HFC JU instead of being the priority number
one, where 80% plus of the funds should be concentrated. The market time line is estimated
at 10 to 40 years by different experts.

Battery technologies are by far the most discussed technologies; however expert opinions
and believes of the future reduction of the costs of batteries diverge enormously. Batteries
can provide energy storage (the time and power is proportional to the number of modules)
and other important ancillary services (e.g. voltage and frequency stabilisation). Batteries
can be close to wind farms or PV systems coupled with the transmission grid, the
distribution grid, be stationary (district storage) or mobile (electric vehicles). Their
technology, optimum size and location have to be determined case by case.

The relative weakness of the Japanese grid strongly encouraged the Japanese Industry to
develop new battery technologies (such as Sodium-Sulphur) to support the grid.
Furthermore, the leading position of the Japanese consumer electronic industry contributed
21
a lot to the development of strong battery leaders in Ni-MH/Li-Ion technologies that are
expected to be involved in the Intermittent Renewable Integration.

The emergence of new actors in the field of consumer electronics impacts a lot the advanced
battery industry with the introduction of Li-ion/Ni-MH batteries coming from Korea and
China. In 2011 about 95% of all Lithium batteries were produced in Japan, Korea and
China. China has by far the highest number of well educated, young electrochemists (about
100 times more than the EU).

In a second step, the emergence of the electric vehicles (including plug-in hybrid vehicles)
is expected to contribute to the creation of a new battery market segment related to large
battery systems and composed of Asian, European & US actors. The Intermittent
Renewable Integration sector will benefit from these developments especially in the
materials part but will also contribute to a creation of new battery segments that will be
composed of the existing battery manufacturers and will incorporate new entrants.

This domain is expected to represent a good opportunity for the development of the Battery
Network (battery industry, battery suppliers, battery service and battery research) and to
encourage the emergence of new technologies such as Advanced Lead-Acid, Advanced Li-
Ion, Flow batteries, etc. This research should also take into account the resource scarcity in
Europe of rare earth elements (95% of the resources of actually used rare earth elements in
Li-Ion batteries sold today are located in China; this issue needs to be addressed by EU
research programmes).

The recent example of the development of the US battery activity induced by the Mobility
and Grid applications make understand that the Europe industry could do the same if the
same markets are growing locally.

The market time line is estimated at 5 to 15 years by different experts.

Thermal Storage - In cities, a large amount of electricity is used for driving individual
electric air-conditioning systems. These units are typically switched on-off over the same
period; thus causing major stress to the electric grid. Many of these units are mounted on
south-facing room; the external heat exchanger is exposed to the sun on the south facing
facades; this further ruins the already weak efficiency. Every year, several millions of units
are mounted in the EU.

Centralised air-conditioning systems have a much higher efficiency; some demonstration


projects successfully demonstrated the added value, if these air-conditioning systems are
operated overnight, with ice-storage: cheap electricity is used overnight; the peak demand is
shifted from noon to night. This has a major positive impact on the grid; it is one of the most
efficient forms of indirect electricity storage. It is also one of the most efficient examples of
the added value of systems integration: Cooling can be provided at about one tenth of the
costs.

CHP power plants are usually integrated into district heating (cooling) systems and operated
according to the heat demand, while the electricity produced is fed into the grid,
independent of the electricity needs. Some demonstration projects of the CONCERTO
initiative proved that the reverse operation, i.e. according to the demand of the electric grid
while storing the heat has high benefits: heat storage is much cheaper than electricity
storage. This indirect form of storage needs a smart energy management system over the
whole district. The technology exists; further deployment should be achieved in the Smart

22
Cities initiative in the coming years; the ultimate aim is to achieve rapid and large scale
replication before 2020.

The next generation of Compressed Air Storage with heat recovery (called adiabatic
CAES) intends to store also the heat produced during compression. This heat can exceed
650°C; the heat exchanger will be very large (larger than the Berlaymont building). An on-
going pilot project in Germany intends to solve the materials problems of such extreme
temperature variations (ambient temperature to 650°c and back to ambient temperature in
minutes, twenty times per day is not easy, nor cheap). A demonstration project might be
ready to start in 2015. If successful, commercialisation might start in 2020.

Liquid air storage is a new concept that deserves attention: it is based on a new
combination of modules that have been proven on industrial scale. The market time line is
estimated at 10 to 20 years by different experts.

Fly wheels - Recent failures (2011) in an US installation of fly wheels for frequency
regulation raised some doubts about this technology3. Another failure in a German lab (an
engineer was killed in August 2011) added further safety issues. Their technical maturity is
well advanced. Fly wheels will always stay in niche applications, as they suffer from high
self-discharge (20% to 100% per day); from extremely high costs for high capacity storage
(€/kWh). The market for flywheels will be focussed more on selling ancillary services to
distribution grids (voltage stabilisation, frequency stabilisation, etc). Their main market
competitor is Li-ion batteries, which are capable of providing further services apart from
pure power services. Their timeline for market penetration seem to be in about 10 years.

Super capacitors - Their technological development, their timeline for market penetration
and their potential market segment are very similar to fly wheels.

Storage to chemicals and materials- This route has an enormous potential, but it is
underestimated and insufficiently researched. Excess electricity can easily be transformed
into bulk chemicals that can easily be transported by ships or pipelines over long distances;
at arrival, these chemicals can be used directly or be transformed into electricity, heat or
other useful products. Scientists and researchers from all over Europe have presented to the
Commission more than 20 ideas; all make scientifically, technically and economically
sense, but no pilot plant has been built up to date. These routes include power to hydrogen,
Power to gas, Power to chemicals, Power to materials, etc.

The hydrogen to chemicals route: The gasification of biomass and other low rank
feedstock or low rank coal can provide the necessary gaseous fuels (syngas – IGCC process)
to produce electricity and heat to back up the intermittent Renewable generation. The use of
carbonic gaseous fuels also paves the way for the chemical storage of renewable energy
sources. There is the option for a syngas based production of storage fuels, which are usable
to equalize fluctuating power demand by incorporating renewable hydrogen. At the same
time it could supply the chemical industry by new raw materials in a syngas based chemistry
process (replacement of petroleum by biomass, coal, low rank feedstocks without CO2
emissions). This is a promising way to decarbonise power production and to store electricity
indirectly. The market time line is estimated at 15 to 40 years by different experts.

3
Beacon Power’s Stephentown, NY, frequency regulation plant (20 MW), which was only commissioned in
July 2011 lost one of its 100-kW-Flywheels on 27th of July and another one on 13th of October.

23
Power to gas: Today the cheapest way to produce hydrogen is the chemical reaction of
natural gas. The gas industry plans to use the reverse reaction to produce natural gas from
hydrogen. This well-known reaction is mature and used in oil and gas industries since
decades. The adaptation from CO as carbon carrier towards CO2 and the dynamic use in a
RES power system still is rather at pilot and demonstration scales.

The weakest link in the chain is the production of hydrogen from variable wind electricity
(see above). Thus power to gas and hydrogen will penetrate the market, once cheap and
electrolysers allowing variable operation have been developed. The market time line is
estimated at 10 to 40 years by different experts.

Aluminium production needs huge quantities of electricity for its production. Producing
aluminium in Southern countries from solar power plants is feasible and transporting
aluminium by ships is very easy (it is lightweight, solid, may have different shapes, etc).
Some experts call aluminium "solid electricity" because of the high amounts of embedded
electricity. This could be a good intermediate solution for project such as Desertec or Helios
in the intermediate phase when the transmission cables are not ready yet. One major
constraint would be that plants have to be installed close to the coast. However, this should
not be a problem, as the majority of the population lives close to the coast; they would
benefit directly from large sources of cheap and green electricity; this will lead towards
economic development for the regions and reduce the main reasons for excessive
immigration to the EU. These regions would be developed, and new manufacturing industry
would install close to the solar plants.

Water desalination (and purification of dirty water to drinking water) are well suited for
variable supply of energy (pumps and membranes can stand large variations); during
periods where supply exceeds demand for electricity the water can easily be stored in plastic
bags in the sea. These installations will not be obsolete when large transmission cables to
the EU are ready. It is estimated that the MENA countries will need some 200 GW locally
before any electricity is transmitted to Northern Europe (internal study of P. Menna and
J.M. Bemtgen, 2011). Such huge quantities of electricity need local storage and local
demand side management for the short and also the very long term.

These routes need careful follow up. They deserve a high attention for research in Horizon
2020.

24
Annex 2. Survey on National Regulation related to Energy Storage (source: European Association for Storage of Energy - status Feb. 2012)
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Austria Yes (for natural gas Regulated in market rules, Market rules by regulator - n.a. n.a. bundled and decentralised
storage) every contract to be agreed Gaswirtschaftsgesetz (GWG) 2011 unbundled products
by regulator (www.e-
control.at)
Belgium No, there is no n.a. n.a. n.a. n.a. n.a. n.a.
specific regulation
for electrical or gas
storage
Czech Yes - access to There are two basic pieces of legislation covering Storage System No incentive No segmentation by technology/ application / location.
Republic underground gas Operators (SSO): schemes for gas
storage as well as • The Energy Act (458/2000) storage apart from Czech mining regulation (The Mining Act, No. 61/1988)
storage capacity Setting out the commercial conditions and public administration rights TPA exemptions covers the gas storage business under the category of
allocation are in the energy sector as provided for by “interventions in the earth’s crust” with no specific
subject to regulation • Market Model Decree (365/2009) the Energy Act segmentation regarding the type of storage (e.g. depleted
but prices are Laying down the rules for the organisation of the gas market field vs. cavern) or technology/ application.
market-based (set in There are additional pieces of legislation relevant for the underground
auctions). gas storage business, including:
No specific • Decree on Network Codes (401/2010)
regulation for gas Setting out the scope and contents of transmission and distribution
exists network codes, storage codes and Gas and Electricity Market
Operator’s Terms and Conditions
• Decree on Gas Grid Connections (62/2011)
Setting out the conditions under which users and infrastructure can be
connected to the gas grid
• States of Emergency Decree (334/2009)
Setting out groups of protected customers, supply standards and
actions to be taken in emergency situations
• Decree on Licensing in the Energy Sector (426/2005)
Setting out details for licensing of entities in the energy sector

Commission européenne/Europese Commissie, 1049 Bruxelles/Brussel, BELGIQUE/BELGIË - Tel. +32 22991111


Office: DM24 06/145 - Tel. direct line +32 229-68475 - Fax +32 229-65801

Jean-Arnold.Vinois@ec.europa.eu
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Denmark Power storage is not The Danish Act on Natural- The Danish Act on Natural-gas - Free – non Storage of Natural n.a. n.a.
mentioned in the gas - chapter 3 chapter 3 discriminating - gas alone
Danish regulations competition
and standards, but
on the other hand
the regulations are
in-directly
discriminating
storage. One
example is that
power storage will
be considered as
consumption, which
mean that you have
to pay tax, and
transport of the
stored power.
Therefore we
(DONG Energy and
DTU) will contact
the authorities to
discuss this subject.
Storage of Natural
gas is mentioned in
the Danish law for
supply of Natural
Gas.Natural - Act
on Natural Gas
(Naturgasforsynings
loven).

26
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
France No, there is no n.a. n.a. n.a. n.a. n.a. n.a.
specific regulation
for electrical
storage

Germany Yes ENWG (covers the ENWG (generally)EEG (covers ENWG (exempts ENWG (considers Transmission Code (ENWG –
eligibility of storage of RES)Transmission Code, new build storage power and gas (explicitly mentions While
connection)(The grid codes Annex D1-D3 (covers Primary, and refurbished storage differently, storage only for actually
make no special Secondary and Minute Reserve PHS from network provides special Primary, Secondary neutral the
requirements on storage, Markets, in a general manner but usage fees)EEG incentives for and Minute Reserve, tone of the
however it must cope both mentions storage) (ensures that PHS) hence balancing regulation
on the requirements on load storage of RES Markets)EEG indicates a
and generation depending on will preserve the (focuses on storage focus on large
its operation mode) remuneration for RES-System scale,
payable for RES integration) centralised
directly fed into storage)
the grid)KWKG
(support
integration of heat
storage into CHP
sites)

27
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Hungary Yes (natural gas Basic regulations in force: No segmentation There is one special No
storage) • Act XL of 2008 on natural gas supply by technology in type of natural gas segmentation
• Government Decree 19/2009 (30 January) on the enforcement of certain provisions of Act the regulation, in storage in Hungary by location in
XL of 2008 on the natural gas supply practice there are which is called the the
• Decree 81/2003 (10 December) of the Minister for Economy and Transport on the only UGS strategic natural gas regulation, in
consumers with priority access to natural gas storages and transportation and distribution (underground gas stock. This stock practice the
pipelines storage) type of could be used only strategic
Strategic natural gas stock: natural gas in specific cases, for natural gas
• Act XXVI of 2006 on the strategic stockpiling of natural gas storages in limited time and for stock is
• Government Decree 265/2009 (1 December) on the limitation of natural gas off take, the Hungary, which dedicated operated in
use of the strategic natural gas stock and on necessary other measures in natural gas supply are operated in consumers, under one specific
emergency situations depleted oil and specific rules and location.
• Decree 13/2011 (7 April) of the Minister for National Development on the amount, sale and gas production conditions. This
re-supplement of the strategic natural gas stock fields. stock is not to be
Natural gas storage tariffs: used as normal
• Decree 31/2009 (25 June) of the Minister for Transport, Telecommunications and Energy commercial stock.
on setting the natural gas system usage tariffs
• Decision 860/2011 of the Hungarian Energy Office on the natural gas storage tariffs
applicable by MMBF Natural Gas Storage PLC as storage system operator from 1 January
2012
• Decision 861/2011 of the Hungarian Energy Office on the natural gas storage tariffs
applicable by E.ON Natural Gas Storage PLC as storage system operator from 1 January
2012
Codes and business rules:
• Decisions 799/2001 and 835/2011 of the Hungarian Energy Office on the approval and
amendments of the Grid and Commercial Code of the Hungarian natural gas system
• Decision 846/2008 of the Hungarian Energy Office on the approval of the business rules of
MMBF Natural Gas Storage PLC as storage system operator
• Decisions 320/2009, 817/2009, 628/2010, 732/2011 of the Hungarian Energy Office on the
approval and amendments of the business rules of E.ON Natural Gas Storage PLC as storage
system operator

28
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Ireland No - for electricity, Grid Connections for Storage (specifically PHS) is dealt with n.a. n.a. The TSO in Ireland n.a,
Yes- for Gas, please Storage are dealt with the as a Special Unit under the Trading & has indicated a
refer to UK for gas same as Thermal generation, Settlement Code (T&SC). PHS is desire to segment
in Republic of Ireland this is considered a Predictable Price Maker storage based on
based on a gate process, in Unit therefore all Commercial Data are application and
NI a generator may submit submitted as zero value. defining storage that
for a grid connection when it does not participate
has planning. in Unit Commitment
as non generating
assets but rather
transmission assets.

29
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Italy No - There are no Art 36, paragraph 4, decree law 93/11 TSO (and DSOs) can build n.a. n.a. n.a. n.a.
specific regulation and operate batteries. However the TSO must justify, through a
regarding energy cost/benefit analysis, that the energy storage system is the most
storage. At the efficient way to solve the problem identified (E.g. compared to the
moment the energy build of new line…).
storage system In any case TSO should not receive a remuneration higher than the
connected to the (measurable) cost of alternative solutions.
grid have to respect
the relative
regulation for the
connection of a
generator to the
distribution grid
(CEI 0-21 for LV
connection and CEI
0-16 for MV and
HV connection).

Netherlands No n.a. n.a. n.a. n.a. n.a. n.a.

30
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Norway no specific in general, grid fees
regulation on consist of a fixed
electricity storage contribution and a
exists, including variable contribution
for pumped hydro depending on energy,
storage which is different for
production and
consumption (pumping in
the case of PHS) and
which gives an additional
“penalty” for
consumption in periods
with high load

31
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Poland Yes- Access, Minister of Economy’s Minister of Economy’s Decree (6 There are no There is no The requirement for Poland is a
capacity allocation Decree (2 July 2010, No February 2008, No 28/2008, pos 165) incentive schemes segmentation strategic storage, put single
and price tariffs are 133/2010, pos 891) regulating tariff structure, calculation in place. All the based on forward by the balancing
subject to regulating the conditions of and payments for the gas market sales. underground technology. Strategic Storage zone,
regulation. The gas systems operations. This This Decree provides a detailed storage facilities However, the only Act (of 16 February therefore
basic legislation Decree regulates the description of the requirements for the are regulated by underground 2007, No 52/2007, there is no
considering the network access, balancing types of price structure allowed, tariff the same rules, put storage operator in pos 52), is fulfilled segmentation
energy market is the regime and fuel quality calculation based on the cost plus forward by the Poland (PGNiG by shippers by based on
Energy Act (of 10 requirements for all the method and settlements between aforementioned S.A.) provided appropriate booking location of
April 1997, No market participants, market participants. Decrees. separated tariffs of storage capacities. the storage
89/2006, pos 265, including underground (tariff groups) for There is no facilities.
with later changes). storage facilities. salt cavern and segmentations of the
Specific issues depleted field facilities based on
concerning the storages. This the purpose they are
underground gas segmentation was used for.
storage are abandoned in the
regulated through last tariff,
Minister of differentiating the
Economy’s storages basing on
Decrees. their performance
parameters only.

32
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Slovakia Yes (access to gas Act. No. 276/2001 Coll. On Decree No. 409/2007 on rules of Reduced grid Through tariff Decree No. n.a.
storage facilities Regulation in the network operation of the gas market – this tariffs for pumping exemptions above 409/2007 on rules
and storage of gas industries - this act besides decree shall provide rules of operation electricity of PHS get a special of operation of the
regulation). others fields shall regulate of the gas market, namely for gas pumped hydro. weight. gas market
Electricity Storage the determination or storage distinguishes
is only covered by approval of the manner, following
tariffing. methods and terms and assignment of
conditions of access to gas storage capacity:
storage facilities and storage fixed storage
of gas regulation Decree capacity and
No. 409/2007 on rules of interrupting storage
operation of the gas capacity. In
market – this decree shall Slovakia, there are
provide rules of operation of some operators of
the gas market, namely for gas storage facilities
gas storage and these operators
have their own rules
of operation of the
gas storage facility
approved by the
Regulatory Office
for Network
Industries. Each of
these operators is
eligible to set its
own conditions of
operating the
corresponding
storage facility.

33
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
Spain No n.a. Pumped Hydro is considered as a In the Royal n.a. n.a. n.a.
power generation system and Decree 661/2007
participates of the electric market. there was an
article related to
Fuel Cells which
received a
regulated tariff of
12.0400 c€/kWh
but the Royal
Decree 1/2012
January 27th
abolished the
bonus for
renewable energies
and cogeneration
including Fuel
Cells.

34
EU Regulation Regulation & Standards Segmentation
Country grid connection market integration incentive schemes by technology by application by location
United No The special case Storage is considered in the Storage is not considered separately There are no direct n.a. Segmentation in GB At the
Kingdom of electricity same way as other and so is treated as any other market incentives for is directly related to distribution
storage is not technologies for grid participant. The rules for market storage. However size of the device level some
recognised in the connections. Connections to participation are based on the power support schemes (defined as medium local schemes
main legislation the transmission system rating of the storage, including for Low Carbon / large) and have been
covering must comply with the compliance with the Grid Code and the Networks provide connection point able to
generation, Connection and Use of Balancing and Settlement Code demonstration (transmission or qualify as
transmission, System Code (CUSC), funds for distribution). In registered
distribution or Balancing Settlement Code innovative projects summary, within power zones
supply of as well as the Grid Code. England and Wales with special
electricity. There Connections to the devices greater than incentives for
are no specific distribution system must 50MWs are subject innovation.
licence conditions comply with the Distribution to different rules This incentive
which apply to the Code. Additional from those below. In is now
ownership or engineering requirements Scotland the closed.Market
operation of must be followed for threshold is 30MW participation
electricity storage. connections to the and 10MW is also
In effect electricity distribution system as depending on the influenced by
storage is currently defined by the distribution location location as
not differentiated network operator. this affects
from the generation the
of electricity. There Transmission
is considerable Network Use
legislation covering of System
the generation, (TNUOS)
supply, Charges and
transmission and the
distribution of Distribution
electricity, mainly Use of
derived from the System
Electricity Act Charges.
1989, and Storage may
subsequently be required to
amended by other pay TNUOS
Acts and Statutory 35 both as a
Instruments generator and
as a
consumer.
36

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